Bookmark and Share
Share
Home » Library » Kaufman v. Commissioner (136 T.C. No. 13)

Kaufman v. Commissioner (136 T.C. No. 13)

This 2011 Tax Court opinion found that the requirement of a cash contribution as a condition of acceptance of a façade easement did not, by itself, result in a finding that the payment was non-deductible as part of a quid pro quo transaction.
Average rating
Your rating


Suggest changes

Last modified by

comments powered by Disqus